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Christine Johnston <br />Mountain Coal Company <br />Page 4 <br />January 13, 1998 <br />Several required analytical parameters for the baseline monitoring <br />program are missing from Appendix F for Spring 15-2. No further <br />response is required at this time. <br />Several required analytical parameters for the baseline monitoring <br />program are missing from Appendix F for Spring J-4. In addition, the <br />baseline monitoring schedule requires that samples for chemical analysis <br />be collected in April (weather permitting), June, and September. No <br />further response is required at this time. <br />16. A response is provided below for each of the paragraphs addressed in the Division's <br />review letter dated November 12, 1997 and in MCC's response letter dated December 11, <br />1997. <br />Response accepted. <br />Based on the information presented in the 1996 AHR, it appears that there <br />is sufficient water in Well SOM-13 to allow sampling for chemical <br />analysis. No chemical analyses were performed for WY96. No further <br />response is required at this time. <br />Several required analytical pazameters for the baseline monitoring <br />program are missing from Appendix I for Wells SOM-45-H-2, SOM-C- <br />76, 96-2-2, 96-27-1, RAV-46, SOM-23-H-1, and SO.W-1. In addition, the <br />baseline monitoring schedule requires that samples for chemical analysis <br />be collected in April (weather permitting), June and September. No <br />further response is required at this time. <br />Replacement of Well GB-1 should be accomplished through a revision to <br />the permit. If chemical analysis data aze available for Well GB-1, please <br />provide these data to the Division. Wells B-32 and SOM-38-H-1 should <br />be maintained or replaced so that sampling can be conducted in <br />accordance with the approved monitoring plan. <br />17. Response accepted. <br />18. Response accepted. <br />